Bodovinac v. McCarthy, Burgess & Wolff, Inc.
Trial Court Opinion
1 JACOB CLARK, ESQ.
Nevada State Bar No. 15196 GORDON REES SCULLY MANSUKHANI, LLP South 4th Street, Suite 1550 Las Vegas, Nevada 89101 Telephone: (702) 577-9300 Direct Line: (702) 577-9344 Facsimile: (702) 255-2858 Email: [email protected] Attorneys for Defendants, MCCARTHY, BURGESS & WOLFF, INC. & CROWN ASSET MANAGEMENT, LLC 9 UNITED STATES DISTRICT COURT 10 DISTRICT OF NEVADA Thomas Bodovinac, Individually and on CASE No. 2:20-cv-02211-JAD-EJY Behalf of All Others Similarly Situated, Plaintiff, DEFENDANT CROWN ASSET 14 MANAGEMENT, LLC’S CONSENT v. MOTION FOR EXTENSION OF TIME TO 15 FILE RESPONSE TO COMPLAINT McCarthy, Burgess & Wolff, Inc., Crown Asset Management, LLC (FIRST REQUEST) and John Does 1-25, Defendant(s).
21 COMES NOW, Defendants McCARTHY, BURGESS & WOLFF, INC. (“MB&W”) and CROWN ASSET MANAGEMENT, LLC (“Crown”), by and through the undersigned counsel, and moves this Honorable Court on consent of Plaintiff to extend the time in which to file their responses to Plaintiff’s Complaint to March 1, 2021. MB&W’s responsive pleading was originally due on January 21, 2021. Crown’s responsive pleading was originally due on February 11, 2021. Gordon & Rees was recently retained to defend both Crown and MB&W in this action and therefore respectfully seeks this extension. Plaintiff's counsel consents to this request.
5 DATED this 24" day of February 2021.
3 GORDON REES SCULLY 4 MANSUKHANI LLP 5 /s/ Jacob Clark JACOB CLARK, ESQ.
6 Nevada State Bar No. 15196 7 300 South 4" Street, Suite 1550 Las Vegas, Nevada 89101 8 Attorneys for Defendants, MCCARTHY, BURGESS & WOLFF, INC. & 9 CROWN ASSET MANAGEMENT, LLC 13 IT IS SO ORDERED.
WwW a> 2 16 U.S. MAGISTRAJE JUDGE Ty» 17 Dated: February 24, 2021 oO
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